Skip to content
Solved
SearchBrowse
Sign in

Contents

Official guidance
Enquiry Manual

EM3830 · Concluding the Enquiry: SA Legislation

  • EM3831 · Introduction
  • EM3831A · Elements of partial and final self-assessment Closure Notices - Closure Notice terminology
  • EM3832 · Elements of partial and final SA Closure Notices
  • EM3833 · Elements of CTSA Closure Notices
  • EM3835 · Notice to reflect all matters to which an enquiry relates
  • EM3836 · Concluding an Enquiry: SA Legislation: What does not constitute a Closure Notice
  • EM3840 · Concluding an Enquiry: SA Legislation: Figures used in Closure Notice
  • EM3845 · Concluding an Enquiry: SA Legislation: Timing of Final Closure Notice - General
  • EM3846 · Concluding an Enquiry: SA Legislation: Timing of Final Closure Notice - No Co-operation
  • EM3850 · Concluding an Enquiry: SA Legislation: Calculating the Amount of Tax on an SA Partial or Final Closure Notice
  • EM3851 · Concluding an Enquiry: SA Legislation: Examples of the Amount of Tax on SA Closure Notices
  • EM3852 · Concluding an Enquiry: SA Legislation: When is an SA Enquiry Legally Completed and Amendments Valid
  • EM3853 · Concluding an Enquiry: SA Legislation: SA Closure Notice Returned
  • EM3855 · Concluding an Enquiry: SA Legislation: SA Final Closure Notice - No Amendment Necessary
  • EM3857 · Concluding an Enquiry: SA Legislation: SA Closure Notice - Standard Form
  • EM3860 · Concluding an Enquiry: SA Legislation: Final SA Closure Notice - Claim/Election not in Return
  • EM3865 · Concluding an Enquiry: SA Legislation: Final SA Closure Notice - Interaction with Jeopardy Amendments
  • EM3867 · Concluding an Enquiry: SA Legislation: Appeals against Jeopardy or Closure Notices
  • EM3868 · Further Information
  • EM3870 · CTSA - Form of Closure Notice
  • EM3871 · CTSA - Manual Closure Notice
  • EM3872 · CTSA - Amounts to be Included in Closure Notices
  • EM3878 · CTSA - Consequential Amendments to Returns for Other Periods
  • EM3885 · CTSA - Return for the Wrong Period
  • EM3886 · CTSA - Example of Return for the Wrong Period
  1. Concluding the Enquiry: SA Legislation: Contents
  2. Concluding an Enquiry: SA Legislation: Timing of Final Closure Notice - General

EM3845 | Concluding an Enquiry: SA Legislation: Timing of Final Closure Notice - General

From HM Revenue & Customs · Enquiry Manual

It has always been common practice in enquiry cases to discuss with the taxpayer and agent the emerging conclusions as to the amount of profits which have been understated and the amount of additional tax etc. which might be due. Such discussions are often exploratory in nature. They give both HMRC and the taxpayer the opportunity to explore any differences and clear up any misunderstandings. They also help to keep the payment position under review and to arrive ultimately at an agreed settlement.

Where the taxpayer and agent are co-operating with you in an attempt to arrive at an agreed position you should be prepared to discuss with them, whether at a meeting, on the telephone or by correspondence, any emerging conclusions on the figure which ought to be included in the final closure notice. In other words, what the self assessment should be. You would not enter into such discussions before you have a reasonably full picture of the case.

The timing of the issue of the final closure notice will therefore be a matter for careful judgement based on all the circumstances of the case.

In general terms, you must bring the enquiry to a conclusion when there is no more information you need to determine whether the return is correct and complete or to quantify any errors or omissions. You will need to strike a balance between obtaining sufficient information to arrive at an informed and sustainable conclusion and seeking every last item of information which might relate to the return.

You will not be able to ask any more questions about the return once you have issued the final closure notice. You should therefore ensure, before you issue it, that you have sufficient evidence at your disposal to be able to draw soundly based conclusions which, if necessary you will be able to defend before the tribunal.

You should not feel that this obliges you to ask for everything conceivable in case you miss something. You must make every effort to obtain all the information that you consider both relevant and material but you must not waste time pursuing trivial matters.

PreviousNext
PrivacyTerms